2. Recordkeeping and reporting requirements for miscellaneous
metal parts coating lines subject to OAC rule 3745-21-09, less than 15
pounds per day OAC rule 3745-21-09
3. Recordkeeping and reporting requirements for miscellaneous
metal parts coating lines subject to OAC rule 3745-21-09, less than 8 or
10 gallons per day
6. Control equipment monitoring, recordkeeping and reporting
requirements for coating lines subject to OAC rule 3745-21-09 and a
pounds of VOC per gallon of solids limitation
7. Control equipment monitoring, recordkeeping and reporting
requirements for coating and printing lines subject to OAC rule
3745-21-09 (B)(6), (H), (Y), (NN), (PP), or (XX)
9. Monitoring, recordkeeping and reporting requirements for
coating operations which (a) are subject to OAC rule 3745-21-07(G)(2), (b)
routinely employ photochemically reactive materials and (c) are not followed
by an oven which is subject to OAC rule 3745-21-07(G)(1)
10. Recordkeeping and reporting requirements for coating
operations which (a) are subject to OAC rule 3745-21-07(G)(2), (b)
infrequently employ photochemically reactive materials, e.g., on just one
day per week, and (c) are not followed by an oven that is subject to OAC
rule 3745-21-07(G)(1)
12. Monitoring, recordkeeping and reporting requirements for
coating operations which are subject to OAC rule 3745-21-07(G)(2) and
followed by an oven which is subject to OAC rule 3745-21-07(G)(1)
13. Recordkeeping and reporting requirements for ovens which (a)
are subject to OAC rule 3745-21-07(G)(1) and (b) are precedced by a coating
operation that is either subject to OAC rule 3745-21-07(G)(2) or is required
to employ only nonphotochemically reactive materials
14. Recordkeeping requirements for coating operations which (a)
are required to employ only nonphotochemically reactive materials, (b) are
followed by an oven that is subject to OAC rule 3745-21-07(G)(1), and (c) do
not employ control equipment
15. Recordkeeping and reporting requirements for new coating
operations which (a) have hourly and daily organic compound emission
limitations pursuant to a PTI, (b) are required to employ only
nonphotochemically reactive materials, (c) are not followed by an oven which
is subject to OAC rule 3745-21-07(G)(1), and (d) do not employ control
equipment
6. Exemption restrictions (6.a), record keeping (6.b), and
reporting requirements (6.c) for tanks which are exempt from
3745-21-09(Z)(1) and (Z)(2) for storing petroleum liquids having a maximum
true vapor pressure of less than 1.5 pounds per square inch absolute
11. Used oil burning, for Off-Specification used oil These
terms should be used where used oils do not meet the used oil specifications
of OAC 3745-279-11 and are burned for energy recovery Note: The
permittee must obtain a U.S. EPA identification number before burning
off-spec used oils
43. Carbon adsorber monitoring where a continuous VOC emission
monitor is not used as the primary means of demonstrating compliance and
where the total mass steam flow rate is measured
44. Carbon adsorber monitoring where a continuous VOC emission
monitor is not used as the primary means of demonstrating compliance and
where carbon bed temperatures are measured
46. Absorber monitoring where a continuous VOC emission monitor is
not used as the primary means of demonstrating compliance and where the
absorbing liquid temperature is measured
47. Absorber monitoring where a continuous VOC emission monitor is
not used as the primary means of demonstrating compliance and where the
absorbing liquid specific gravity is measured
Q. Gasoline Dispensing Facilities Subject to Stage I or Stage
I/Stage II Requirements For Stage I terms, from OAC rules found in
3745-21-09(R) use terms Q.1 through Q.8. For Stage II terms, from OAC rules
3745-21-09(DDD) use terms Q9 through Q16. Note: See the qualifications for
permit-by-rule exemptions for gasoline dispensing facilities with Stage I
controls in OAC 3745-31-03(A)(4)(h) and Stage 1 and Stage II controls in
OAC 3745-31-03(A)(4)(i). Note: These terms only reflect the requirements
of OAC 3745-21-09; addition terms will be required for federal rules where
applicable, e.g.: 40 CFR 60, Subparts K, Ka, or Kb; or 40 CFR 63 Subpart
W. Coating Usage Limitations (For Existing or New Emissions Units)
The coating usage limitation terms and conditions are used to restrict the
operation of emissions units to limit potential emissions. This is done so
facilities can avoid various regulations. For instance, a facility may be
installing a new emissions unit that has potential emissions over the
40-ton PSD threshold for VOCs. To avoid PSD review, the facility may agree to
a coating usage restriction that results in less than 40 tons of
emissions. By agreeing to this restriction, the facility can avoid PSD
review. Note: Restrictions can be in the form of production rate
limitations or hours of operation limitations, instead of coating usage
limitations. Use the Terms & Conditions Library Section V for production
rate limitations and Section X for operating hours limitations.
X. Operating Hours Limitations (For Existing or New Emissions
Units) The operating hours limitation terms and conditions are used to
restrict the operation of emissions units to limit potential emissions.
This is done so facilities can avoid various regulations. For instance, a
facility may be installing a new emissions unit that has potential emissions
over the 40-ton PSD threshold for VOCs. To avoid PSD review, the facility
may agree to operating hours limitations that results in less than 40 tons
of emissions. By agreeing to this restriction, the facility can avoid PSD
review. Note: Restrictions to limit the potential to emit can be in the
form of production rate limitations or gallons of coating used per unit of
time, instead of the restriction on the hours of operation. Use the Terms
& Conditions Library Section V for production rate limitations and Section
W for coating usage limitations.
VE. Visible Emissions Note: If this term is being used for a
scrubber stack, the following sentence may be added: The presence of water
vapor in the scrubber plume does not constitute visible emissions. Note:
The applicable rule under each term should be changed if the source is subject
to a specific rule for the facility or for the type of source; and
additional rules should be added as applicable from OAC 3745-17-07 and OAC
3745-17-08
Visible Emissions Log (Monitoring and Record keeping) The VE
Log terms for Monitoring, record keeping, and reporting requirements can be
used for emissions units that: 1. emit particulates; 2. are
subject to a visible particulate emissions limitation established pursuant
to OAC rules 3745-17-07 or 3745-31-05; 3. are not considered
inherently clean; 4. do not use data from a continuous opacity monitoring
system to ensure ongoing compliance with the applicable particulate
emission limitations; and 5. either do not employ control equipment* or
do not use the parametric data from
the control system to ensure
ongoing compliance with the applicable particulate emission limitations
* term VE.5 might be used for ongoing compliance with fugitive emissions
involving and/or following a capture device, but Method 9 or Method 22
would be used to demonstrate actual compliance with an opacity or “no
visible fugitive emissions” limitation during testing Method 9 (or in
the case of the no visible particulate emission limitation, Method 22) is
used for the determination of compliance with visible emissions opacity
limitations; however, the following terms allow the evaluation of
visible particulate emissions from an emissions unit, where it is not
practical to conduct Method 9 observations or frequent Method 9
observations to ensure ongoing compliance. Note: The frequency for
performing visible emission checks may be adjusted (i.e., daily, weekly,
monthly, etc.) where it can be demonstrated that there has been no
exceedance of the opacity limitation over a period of time (terms VE.7).
Certain operations may require checks to be performed during a certain
phase of an emissions unit’s operation. Note: It is important to specify
the egress point(s) for fugitive emissions, especially where there may
be more than one emissions unit releasing emissions inside a building. The
locations where the fugitive emissions observations are to be performed
must be clearly defined.